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SEC Follow Up Exhibits Part C SEC_OEA_FCIC_001760-2501

SEC Follow Up Exhibits Part C SEC_OEA_FCIC_001760-2501

SEC Follow Up Exhibits Part C SEC_OEA_FCIC_001760-2501

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Table of Contents<br />

Information Reporting and Backup Withholding<br />

We must report annually to the Internal Revenue Service and to each non-U.S. holder the amount of dividends paid to such holder<br />

and the tax withheld with respect to such dividends, regardless of whether withholding was required. Copies of the information returns<br />

reporting such dividends and withholding may also be made available to the tax authorities in the country in which the non-<br />

U.S. holder resides under the provisions of an applicable income tax treaty.<br />

A non-U.S. holder will be subject to backup withholding for dividends paid to such holder unless such holder certifies under<br />

penalty of perjury that it is a non-U.S. holder (and the payor does not have actual knowledge or reason to know that such holder is a<br />

U.S. person as defined under the Code), or such holder otherwise establishes an exemption.<br />

Information reporting and, depending on the circumstances, backup withholding will apply to the proceeds of a sale of the<br />

Series G Preferred Stock or our common stock within the United States or conducted through certain U.S.-related financial<br />

intermediaries, unless the beneficial owner certifies under penalty of perjury that it is a non-U.S. holder (and the payor does not have<br />

actual knowledge or reason to know that the beneficial owner is a U.S. person as defined under the Code), or such owner otherwise<br />

establishes an exemption.<br />

Any amounts withheld under the backup withholding rules may be allowed as a refund or a credit against a non-U.S. holder’s<br />

U.S. federal income tax liability provided the required information is furnished to the Internal Revenue Service.<br />

S-30

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